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COMPLIANCE INFO_PRE 2019
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PR0521664
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COMPLIANCE INFO_PRE 2019
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Last modified
1/25/2022 4:55:12 PM
Creation date
6/9/2018 1:20:09 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
1900 - Hazardous Materials Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0521664
PE
1921
FACILITY_ID
FA0013918
FACILITY_NAME
CHEVRON STATION #210997*
STREET_NUMBER
1442
STREET_NAME
COLONY
STREET_TYPE
Dr
City
RIPON
Zip
95366
APN
26102028
CURRENT_STATUS
01
SITE_LOCATION
1442 Colony Dr
P_LOCATION
05
P_DISTRICT
005
QC Status
Approved
Scanner
SJGOV\kblackwell
Supplemental fields
FilePath
\MIGRATIONS\C\COLONY\1442\PR0521664\COMPLIANCE INFO.PDF
QuestysFileName
COMPLIANCE INFO
QuestysRecordDate
8/24/2016 10:53:14 PM
QuestysRecordID
2916913
QuestysRecordType
12
QuestysStateID
1
Tags
EHD - Public
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I INTRODUCTION <br /> 2 Plaintiff, the People of the State of California ("Plaintiff'), will file its Complaint to initiate <br /> 3 this matter as a civil action, and Defendants, Chevron U.S.A. Inc. and Chevron Stations Inc. <br /> 4 (hereafter collectively "Defendants" and individually "Defendant"), will accept service of the <br /> S Complaint through their counsel. Plaintiff is appearing through its attorneys Kamala D. Harris, <br /> 6 Attorney General.of the State of California, by Brett J. Morris, Deputy Attorney General, Paul <br /> 7 Gallegos, District Attorney of Humboldt County, by Matthew C. Maclear, Deputy District <br /> 8 Attorney, Larry D. Morse, District Attorney of Merced County,by Matthew C. Maclear, Deputy <br /> 9 District Attorney, Clifford Newell, District Attorney of Nevada County, by Matthew C. Maclear, <br /> 10 Deputy District Attorney, and Jan Scully, District Attorney of Sacramento County, by Douglas <br /> 11 Whaley, Deputy District Attorney. Defendants are appearing through their attorneys Todd <br /> 12 Littleworth and Latham &Watkins LLP, by Karl S. Lytz. <br /> 13 The Parties, after opportunity for review by their respective counsel, hereby stipulate and <br /> 14 consent to the entry by the court of Final Judgment and Permanent Injunction ("Final Judgment") <br /> 15 on the terms set forth below. <br /> 16 JURISDICTION <br /> 17 The Parties stipulate and agree that the Superior Court of California, County of Alameda, <br /> 18 has subject matter jurisdiction over the matters alleged in this action and personal jurisdiction <br /> 19 over the Parties. <br /> 20 APPLICABILITY <br /> 21 1. Plaintiff alleges that on or before August 1, 2011, Defendants have committed violations <br /> 22 of requirements imposed by the California Health and Safety Code and related implementing <br /> 23 regulations, county codes, local ordinances, permits or orders that govern (a) the operation and <br /> 24 maintenance of underground storage tanks ("USTs") and UST systems and (b) the handling of <br /> 25 hazardous materials, hazardous wastes and hazardous substances generated by operation of USTs, <br /> 26 UST systems, and motor vehicle maintenance, in the State of California at Defendants' facilities <br /> 27 identified in Exhibit A, a document which is incorporated herein by reference (hereinafter <br /> 28 collectively referred to as the "Covered Facilities"). <br /> 2 <br /> Stipulation for Entry of Final Judgment and Permanent Injunction <br />
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